oca-t5-14.pdf

.
.
BEFORE THE
POSTAL RATE COMMISSION
WASHINGTON, D.C. 20268-0001
Mailing Online Service, 1998
RECEIV:!\
JUL 23 2 05 i’ij “90
Docket No. MC98-1
)
OFFICE OF THE CONSUMER ADVOCATE
INTERROGATORY
TO UNITED STATES POSTAL SERVICE
WITNESS: MICHAEL K. PLUNKETT
(OCA/USPS-T5-14)
(July 23, 1998)
Pursuant to sections 25 and 26 of the Rules of Practice of the Postal Rate
Commission,
the Office of the Consumer Advocate
requests for production
OCA/USPS-Tl-1-7
incorporated
of documents.
Instructions
hereby submits interrogatories
included with OCA interrogatories
to witness Lee Garvey, dated July 21, 1998, are hereby
by reference.
Respectfully
and
submitted,
&da
Acting Director
Office of the Consumer Advocate
-Emmett Rand Costich
Acting Assistant Director
Docket No. MC98-1
OCAAJSPS-TB14.
2
Please refer to your testimony at page 13, lines 9-l 1. You state
that “the Postal Service has been conducting
customers
a.
have received free printing services
test during which
_”
Have these “free printing services” ever been performed on site at a postal
facility.
If so, please identify that facility and describe its physical relationship
the facility referred to in interrogatory
b.
an operations
to
OCAIUSPS-T5-3(b).
Please provide the total Postal Service expenditures
to date on “free printing
services.”
C.
Have these “free printing services” ever been performed off site at a nonpostal
facility.
If so, please identify that facility and describe its physical relationship
the facility referred to in interrogatory
d.
Has the “operations
to
OCAAJSPS-T5-3(b).
test” ever involved the transportation
of Mailing Online
pieces between a printing site and the facility referred to in interrogatory
OCAAJSPS-T5-3(b)?
If so, please identify the form(s) of transportation
utilized
(contract highway intra SCF, VSD, private printer vehicle, etc.).
e.
Please provide the total Postal Service expenditures
transportation
f.
to date on the
services referred to in part (d) of this interrogatory.
Since the commencement of the operational test period, on how many days
have Mailing Online pieces been transported
of interrogatory
transportation
OCAAJSPS-T5-3?
runs?
to the facility referred to in part (b)
On how many days have there been no
,
’
Docket No. MC98-1
3
Please provide a frequency
1, 2, etc., transportation
distribution showing the number of days on which 0,
runs of Mailing Online pieces have been made to the
facility referred to in part (b) of interrogatory
commencement
h.
of the operational
Please provide a tabulation
OCA/USPS-T5-3
since the
test period.
showing the volume of Mailing Online pieces broken
down by number of transportation
runs per day. In other words, the tabulation
should show the total volume of Mailing Online received at the facility referred to
in part (b) of interrogatory
transportation
i.
OCA/USPS-TB3
on days when 1, 2, 3, etc.,
runs were made.
During the “operations
test,” have Mailing Online pieces been entered through a
Bulk Mail Acceptance
Unit? If not, please describe precisely how Mailing Online
pieces have entered the mailstream
OCAIUSPS-T53(b).
at the facility referred to in interrogatory
Please describe all documents
created or exchanged
during the entry process and provide examples of such documents.
i
Please provide copies of all documents
instructions
for definitions
particularly
interested
of “all docum
in documents
describing or evaluating
the “operations
test”
or any portion thereof.)
k.
Was any evaluation
to a market test?
I.
of the “operations
test” made prior to the decision to proceed
If not, why not? If so, please provide a copy of the evaluation.
Has the feasibility of Mailing Online been reevaluated
of the “operations
test”?
since the commencement
If not, why not? If so, please provide copies of all
Docket No. MC98-1
4
documents
relating to such reevaluation.
documents”
ye l&9
and ‘w
(See instructions
for definitions
to.“)
CERTIFICATE
OF SERVICE
I hereby certify that I have this date served the foregoing document
participants
of record in this proceeding
in accordance
upon all
with section 12 of the rules of
Emmett Rand Costich
Attorney
Washington, D.C. 20268-0001
July 23,1998
of “all